DPA 2018 does not draw in GDPR. That is done by ECA 1972 and in due course by EU(W)A 2018. DPA does however modify some aspects of DPA 2018 including Sched 1 requirements for a policy statement in some cases.
So the policy statement is a requirement of DPA but its contents are defined by Art 5 GDPR and Para 39 (b) - although I haven't worked out why the latter was thought necessary as it could have been done by reference to GDPR since it adds nothing
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