The U.S. Court of Appeals for the Eighth Circuit recently held that individual defendants in a Section 1983 lawsuit brought by a transgender inmate were entitled to qualified immunity on some, but not all, of the inmate's claims. Specifically, the inmate's Fourth Amendment (unreasonable search) and First Amendment (retaliation) claims survived the qualified-immunity challenge. Judge Jane Kelly concurred in part and dissented in part, and would also have denied qualified immunity to the individual defendants on the First Amendment (expressive conduct) and Eighth Amendment (deliberate indifference) claims.